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NOGRRNumber
069NOGRRTitle
Relay Misoperation Reporting Changes forConsistency with ERO-RAPA Proposal
Date April 11, 2011
Submitters Information
Name W. Curtis Crews
E-mail Address [email protected]
Company Texas Reliability Entity
Phone Number 512-583-4989
Cell Number
Market Segment Regulator
Comments
Texas Reliability Entity (Texas RE) is deeply involved with the development ofconsistent misoperation reporting format and associated metrics. Texas RE staffdiscussed the changes in the format for the misoperations report and periodicity inreporting with ROS in November 2010 with SPWG members in attendance andFebruary 2011 at the SPWG meeting. The consistency in reporting format is animportant step forward in yielding consistent metrics. The ERO-RAPA group is charged
with developing metrics for evaluating reliability across all NERC Regions; its memberscome from all 8 NERC Regions. ERO-RAPA discussed some of the comments relatedto reporting misoperations introduced by the NERC System Protection & ControlSubcommittee (SPCS) that are controversial and subject to varying interpretations froma compliance perspective. Specifically the language regarding an aggregate approachto determining a reportable misoperation is not fully supported by Texas RE or otherRegional Entities. Additionally, some of the definitions do not meet the NERCGlossary of Terms today. As such, it is premature to adopt these today. It wasdetermined and emphasized that some variants of the report form were acceptable.Texas RE will provide the Regional Entity misoperations form with appropriate changesin unsupported verbiage, consistent with the key tenets and data fields of the NERC
ERO-RAPA form. Texas RE staff will continue to work with ERCOT stakeholders asthis issue continues to develop. Texas RE believes it is in the best interest of allinvolved to maintain transparency regarding all misoperations, so as to more fullyidentify their causes, share information, and ultimately reduce their number.
Specific comments:This ERCOT protocol definition of protective relay system (as defined in 6.2.1 (1)) doesnot meet NERC Glossary of terms for Protection Systems. The Operating Guides do
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not include associated communication systems in 6.2.1 (1). The NERC reportingrequirements are for Protection System misoperations and include associatedcommunication systems.. Further action will be needed to include changes to 6.2.1 (1).The protective relay system was replaced with Protection System throughout thissection to match the NERC glossary.
Section 6.2.3 (2) (a) Language was introduced to include generator misoperations forclarification purposes. The aggregate approach to reportable misoperations is notsupported by the NERC Reliability Standards or Texas RE. Additionally it is in directconflict with first sentence of this definition (as was pointed out by ERO-RAPA indiscussions with SPCS). The SPCS is working towards the aggregate reportingprinciple but the NERC Standards language has not changed to fully support theirproposal; again, it is premature to adopt this position. The third sentence was struck.
Section 6.2.3 (2) (b) Transparency of misoperations within the grid is an important issueand should not be ignored. The second sentence also violates the basic tenets of the
first sentence and was struck.
Section 6.2.3 (2) (d) To be consistent with NERC Glossary of Terms, constructionand/or commissioning activities was removed in the second sentence. Again, this wasnoted by ERO-RAPA in discussions as being inconsistent with NERC Glossary ofTerms and is being further discussed.
Section 6.2.3 (2) (e) (changed to 6.2.3 (3) (b)) The language should not restrictive to aFacility Owner Employee. Suggest adding personnel or Contractor instead.
Section 6.2.3 (2) (f) (changed to 6.2.3 (3) (d)). The Failure to Reclose inclusion, or
exclusion as proposed by SPWG, is another discussion point with ERO-RAPA andSPCS as some Regional Entities, such as Texas RE, believe that these should becounted. Texas RE proposes keeping this language as the end result, generally, is adirectly opposite intended effect of the recloser functions and it is important to maintainawareness of this source of misoperations. As stated at the SPWG, Texas RE staff willremove these reported items prior to Misoperation Report submission to NERC.
Additionally, this item ties into the IEEE Standard proposed to be removed by SPWG(refer to Section 6.2.3 (4) now re-annotated to (5)).
Section 6.2.3 (3) (changed to 6.2.3 (4)). Language was added to clarify that SPSmisoperations reporting is on a quarterly basis as well.
Section 6.2.3 (4) (changed to 6.2.3 (5)) Texas RE supports the idea of providingERCOT with data that may be necessary in determining risk to BPS/BES componentsas described in the second sentence. That information may become more valuable asprobabilistic assessments emerge throughout the industry.For the rest of the paragraph-- Removing supporting language in the first sentence
indicating how Facility Owners document performance is not supported by Texas RE. Itis understood that this paper includes Failure to Reclose as a misoperation (as
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indicated before as being fully supported by Texas RE) and is of concern by SPWGbased on the SPCS comments regarding reportable. Additionally, the k factor isimportant in determining performance. Without the k factor there is the mathematicalpossibility of increasing the misoperation percentage. Removal of the k factor doesnot alter the responsibility of reporting all misoperations. Regional Entity discretion as
indicated as acceptable and expected by NERC ERO-RAPA is being exercised byinclusion of these two specific issues.
Section 6.2.3 (5) (changed to 6.2.3 (6)) Changed annually to quarterly to clarifyexpectations. Regarding the 345 kV performance sentence, depending on what isdetermined in paragraph above this sentence may need changed. Suggest removingthe verbiage regarding and compliance.
Section 6.2.3 (7) (changed to 6.2.3 (8) The sentence All non-compliance findings shallbe documented, including a plan for achieving compliance is somewhat ambiguous. Ata minimum, documentation would include a NERC Self Report.
Comments on Section 8, Attachment B, Relay Misoperation Report RelayMisoperation Report
The name of Texas RE is incorrect and has been changed. It is suggested that MarketRules do a global administrative change to capture all the inconsistencies within theERCOT Protocols and Guides. There will be a need to review exactly what is stated inthe ERCOT Protocols and Guides to determine if further actions, such as removal ofTexas RE reference, are required. There are some minor edits suggested to the fielddefinitions (including language regarding Entity Registration Name in Column C andavailability of the TADS software in Column S)
Revised Cover Page Language
Overall Market Benefit
Clarification of proposed language avoids misunderstanding thatcould ultimately lead to compliance issues. Overall effort to matchNERC and Regional reporting reduces workload associated withrelay misoperation review. Clearer understanding of misoperationsdata, performed more frequently, will lead to more timely correctionof issues and improve reliability. This NOGRR will provide ERCOTthe ability to be consistent with other NERC regions in terms of relaymisoperation reporting. This NOGRR will allow NERC to producethe ALR4-1 metric Automatic Transmission Outages Caused byProtection System Misoperations on a consistent basis.
Overall Market Impact
Relay misoperation reporting will change from an annual requirementto a quarterly requirement. Although most data fields remain thesame, some of the data fields submitted as part of the quarterlyrequirement will change from what is in place for the existing annualrequirement.
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cleared within the specified time for the protection for that adjacent zone is not a
reportable misoperation.Any relay initiated operation of a circuit breaker during afault when the fault is outside the intended zone of protection;
(d) Unnecessary Trip Other Than Fault Any unnecessaryprotective relay
systemProtection System operation when no fault or other abnormal condition hasoccurred. Note that an operation that occurs during on-site maintenance and ,testing activity, construction and/or commissioning activities is not a reportable
misoperation.The unintentional operation of a protective relay system, which
causes a circuit breaker to trip when no system fault is present. May be due to
vibration, improper settings; load swing, defective relays, or SCADA systemmalfunction;
(3) Additional clarification regardingprotective relay systemProtection System
misoperations:
(a) Trip Initiated by a Control System - Operations which are initiated by control
systems (not byprotective relay systemProtection Systems), such as thoseassociated with generator controls, or turbine/boiler controls, circuit breakermechanism, or other facility control systems, are not considered Protection
System misoperations.
(be) Trip Initiated by a Facility OwnerpersonnelEmployee including Contractors-
Personnel Employee action that directly initiates a trip is not included in thiscategory. It is the intent of this reporting process to identify misoperations of the
relay system as it interrelates with the electrical system, not as it interrelates to
personnel involved with the relay system. With this in mind, iIf an individual
directly initiates an operation, it is not counted as a misoperation (i.e.,
unintentional operation during tests); however,. On the other hand, iIf atechnician leaves trip test switches or cut-off switches in an inappropriate position
and a system fault or condition causes a misoperation, this would be counted as arelay systemProtection System misoperation; and.
(cf) Failure of Relay Communications A communication failure in and of itself is
not a misoperation if it does not result in misoperation of the associatedprotective
relay systemProtection System.
(d) Failure to Reclose Any failure of aprotective relay systemProtection System to
automatically reclose following a fault if that is the design intent.
(43) All SPS misoperations shall be documented, including corrective actions and thedocumentation supplied to ERCOT and NERC upon request within five Business Days.
All SPS misoperations shall be documented using the format in Section 8, Attachment B.
SPS misoperations shall be included in the quarterly misoperations report requirements.
Any of the following events constitute a reportable SPS misoperation:
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(a) Failure to Operate Any failure of a SPS to perform its intended function within
the designed time when system conditions intended to trigger the SPS occur;
(b) Failure to Arm Any failure of a SPS to automatically arm itself for systemconditions that are intended to result in the SPS being automatically armed;
(c) Unnecessary Operation Any operation of a SPS that occurs without the
occurrence of the intended system trigger condition(s);
(d) Unnecessary Arming Any automatic arming of a SPS that occurs without the
occurrence of the intended arming system condition(s); and
(e) Failure to Reset Any failure of a SPS to automatically reset following a return
of normal system conditions if that is the design intent.
(54) Facility owners shall document the performance of theirprotective relay
systemProtection Systems utilizing the method described in the paper Transmission
Protective Relay System Performance Measuring Methodology, IEEE/PSRC WorkingGroup I3 September 16, 1999. Facility owners shall report the performance of their 345
kVprotective relay systemProtection Systems for the previous 12 months to ERCOT onan annual basis. The performance data reported shall include the total number of
protective relay systemProtection System misoperations, the total number of events, and
the factor k.
(65) At least annuallyquarterly, ROS designated working groups shall review theprotective
relay systemProtection System misoperation reports and, at least annually, 345 kVperformance data offFacility owners for analysis ofprotective relay systemProtection
System performance and compliance.
(76) All facility owners shall install, maintain, and operate disturbance monitoring equipment
in accordance with the requirements in Section 6.1.2.3, Data Recording Requirements.
(87) Facility owners shall provide an assessment of the system performance results of
simulation tests of the contingencies as required by in Table I ofNERC ReliabilityStandards TPL-001. These assessments should be based on existing protection systems
and any existing backup or redundancy protection systems to determine that existing
transmission protection systems are sufficient to meet the system performance levels asdefined in NERC Reliability Standards and the associated Table I. All non-compliance
findings shall be documented per NERC requirements, including a plan for achieving
compliance. These assessments shall be provided to NERC or ERCOT onupon their
request within 30 days of the request.
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Section 8, Attachment B, Relay Misoperation Report
Relay Misoperation Report
Relay misoperations shall be reported in anythe format compatible with ERCOT (i.e., Microsoft
Excel , Microsoft Word , or PDF) except where a specific format is requested by the Texas
Regional Entity (TRE). As a minimum, aAll fields of data specified in the table below shall be
included in the report. The file shall include the "Field Names" listed in the table below asheaders for each field and the data size/format shall match "Size and/or Format" specified in the
table below.
Each row in the Relay Misoperation Report records one misoperation. If an event has more than
one misoperation associated with it, there should be more than one row reported that pertains to
the event. In a multi-misoperation event, information from one misoperation can be copied orrepeated in another misoperation associated with the same event, if appropriate. In this case,
providing the Transmission Availability Data System (TADS) event code identifies that each
misoperation was associated with a single event.
Field Name TypeSize and/or
Format Description
A. Resubmittal Check Text Drop down
New NERC reporting requirements include quarterlyreporting. Individual misoperation entries may requirereview and updates that bridge the quarterly reportingrequirements. To capture metrics properly doublenotification of resubmittal is required. Default is No.
B. Regional Entity Text Drop down Name of Regional Entity
C. Entity Name Text 25 characters Name of Entity (NERC Registration Name)
D. Misoperation Date Date mm/dd/yyyy The date of the misoperation.
E. Misoperation Time Time hh:mm:ssThe time at which misoperation occurred in 24-hourformat this could be time marked by the relay if it issynchronized with GPS clock, time noted by eachfacility owners or operators operations control center.
F. Time zone Text Drop downDefine the standard time zone of the misoperation timenoted (i.e. CST, EST, etc.)
G. Facility Name(Location ofmisoperation)
Text
Name used inNetwork
OperationsModel per TAC
approvednaming
convention
Identify the name of the facility (i.e., substation orgenerating station) where the misoperation occurred.
H. Equipment Name
(protected byProtection System thatMisoperated)
Text
Name used inNetwork
OperationsModel per TACapprovednaming
convention
Identify by name the generator, transmission line,transformer, bus or equipment protected by theProtection System that Misoperated.
I. Equipment Type Text Drop downSelect type of equipment being protected ( e.g., Line,
Transformer, etc.) from drop-down list
J. Facility Voltage Text Drop downSelect system voltage (in kV) of the protected element(if transformer, high side kV) from drop-down list.
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K. Equipment Removedfrom Service
Text
255, utilizingNames used in
NetworkOperations
Model per TACapprovednaming
convention
Enter names of the equipment becoming unavailabledue to the event (Equipment only refers to circuits,transformers, busses, but not breakers UNLESS thebreaker is the only element).
L. Event Description Text 255Provide a brief description of the event and detaileddescription of misoperation root causes (see causecode in Column P).
M. Protection Systems/Components thatMisoperated
Text 255
Only provide information on the components/protectionsystems that misoperated. If misoperated componentsare relays, list relay models (types) and protectionschemes.
N. Relay Technology Text Drop downSelect Electromechanical, Solid State, or MicroProcessor from drop-down list
O. Misoperation Category Text Drop down Select Misoperation Category from drop-down list.
P. Cause(s) ofmisoperation
Text Drop downSelect root cause(s) of the misoperation from drop-down list. Detailed definitions of the root causes areprovided below.
Q. Is this a TADSreportable outage?
Text Drop down Select Yes or No from drop-down list.
R. Corresponding TADSCause Code
Text AutomatedThis field is automatically populated to show thecorresponding TADS cause code(s). No manual entry isneeded.
S. Enter one or moreTADS "Event IDs" ifthis is a TADSreportable outage?
Text 255
Create a TADS Event ID using TADS Form 5 (Typically,a TADS Event does not last for more than 5-10 minutes.If a misoperation lasts for 30 minutes or more, therewill likely be more than one TADS Event ID to beentered in this column. The TADS Form 5 "Event IDs"can be entered by the TO (or his delegated reportingentity; i.e. TOP or relay technician) at any time of theday or night. TADS is always running . . .for thoseUsers who wish to do partial data entry on the sameday as the Event)
T. Analysis andCorrective ActionStatus
Text Drop down
Select the status from drop-down list. In general,misoperation analysis is conducted first, and then aCorrective Action Plan will be developed andimplemented to mitigate the misoperation.
U. Corrective Action Plan Text 255 Identify the corrective action(s).
V. Corrective Action PlanTarget CompletionDate
Date mm/dd/yyyyIf corrective actions are not complete, estimate whenthey will be complete.
W. Actual CompletionDate
Date mm/dd/yyyyIf corrective actions are complete, enter actualcompletion date.
X. Reported By Text 25 Enter the name of the person filling out the report.
Y. Phone Text 50 Enter the reporting persons phone number.
Z. E-Mail Text 50 Enter the reporting persons E-MAIL address.
AA. Date Reported Date mm/dd/yyyy Enter the report date.
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Protection_Scheme Text 25Type of protection scheme applied (i.e. Differential,DCB, SPS, Step distance, etc.).
Equipment_Name Text 50Specific description of the protected transmissionequipment.
CB_Number Text 50Unique circuit breaker number assigned or used by the
facility owner that effected the actual isolation.
Fault_Type Text 50Type of fault occurred (L-L, L-G, L-L-G, 3L-G, etc. If themisoperation occurred for a non-fault condition, notethis field with N/A).
Communication_Method
Text 50Type of communication method used for the protectionscheme (i.e. Pilot wire, fiber, power-line carrier, etc.).
Manufacturer Text 50 Relay Manufacturers name.
Relay_Type Text 50Relay Type or style name (i.e. SEL-321, REL-512, CO-9,etc.).
Relay_Style Text 50 Relay model number.
Misop_Category Text 50
Relay events constitute as reportable protective relaysystem misoperation as detailed in Section 6.2.3,Performance Analysis Requirements for ERCOT SystemFacilities.
Misop_Description Text 32,767Description of the protective element/scheme failurethat caused the misoperation.
Investigation_Results Text 32,767Description of the analysis results from themisoperation review and any deficiencies identified.
Corrective_Action Text 32,767An action plan to correct any deficiencies identified inthe investigation results or any additional action planto avoid similar operations in the future.
Target_Date Datemm/dd/yyy
y
Target date to implement the corrective action plan atthe terminal(s) where the misoperation(s) occurred.
This could also be the date that the corrective actionplan was implemented.
Recommendation Text 32,767System wide corrective action plan or long termsolution to avoid similar misoperations (i.e. designchanges, equipment replacements, etc.).
Report_By Text 25 Individual who completed the report.
Phone Text 50Business phone number of the individual whocompleted the report.
Report_Date Datemm/dd/yyy
yThe date at which the report was completed (i.e. whencorrective action was implemented).
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